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Cir v people’s stores walvis bay pty ltd

WebCIR v People’s Stores (Walvis Bay) (Pty) Ltd 1990 . Accrued to. The taxpayer, a retailer, sold goods to its customers on a 6 month instalment credit basis. The court was called upon to decide whether amounts which would become receivable after the end of the year of assessment had in fact accrued to the taxpayer.

COMMISSIONER FOR INLAND REVENUE v PEOPLES STORES …

WebCOMMISSIONER FOR INLAND REVENUE v PEOPLE‟S STORES (WALVIS BAY) (PTY) LTD. 52 SATC 9 (A) - 1989 Importance Classification: Very important as the Appellate … WebMP Finance Group CC (in liquidation) v C:SARS, 2 and 31 May 2007, 69 SATC 141 & CIR v Delagoa Bay Cigarette Co Ltd, 32 SATC 47 b. CIR v Lategan 1926 CPD 203, 2 SATC 16 … simplified winding up https://treschicaccessoires.com

Which court case established the principle that where - Course Hero

WebIN CIR v People’s Stores (Walvis Bay) (Pty) Ltd (1990 A) the court held that the amount that “accrued to” a taxpayer is the amount to which a taxpayer “had become entitled to”. If there is a condition imposed in the contract, accrual is deferred until the condition is fulfilled. WebCIR v People's Stores (Walvis Bay) (Pty) Ltd. An amount 'accrues to' a taxpayer when the taxpayer is 'entitled to payment' and not when the amount becomes 'due and payable' in a later year of assessment. Lategan v CIR. When the taxpayer becomes entitled to the amount, an amount accrues to the taxpayer. Webfour judges concurring with Hefer JA’s judgment in the case of CIR v People’s Stores (Walvis Bay) (Pty) Ltd, 1990 (2) SA 365 (A), 52 SATC 9 (hereafter referred to as the … simplified will

People v. Kurr, 654 N.W.2d 651 (2002): Case Brief Summary

Category:Court cases Tax 300.docx - 1. Principles from case law The...

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Cir v people’s stores walvis bay pty ltd

Commissioner for Inland Revenue v People

WebAppellate Division in Commissioner for Inland Revenue v People’s Stores (Walvis Bay) (Pty) Ltd 1990 (2) SA 353 (A). The judgment in People’s Stores endorsed the so-called … Web(Lategan v CIR 1926 CPD 203; CIR v People s Stores (Walvis Bay) (Pty) Ltd 1990 (2) SA 353A). The taxpayer s argument The taxpayer argued that in order to give rise to an accrual the right to claim payment from its customers must be unconditional.

Cir v people’s stores walvis bay pty ltd

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WebCIR v People Stores (Walvis Bay) (Pty) Ltd. 1990 (2) SA 353 (A). 6. Geldenhuys v CIR. 1974 (3) SA 256 (C), 14 SATC 419. 3 unconditional. 7. An amount is included in a person’s gross income in the year in which it is received by him or her or the year in which it accrues to him or her, whichever comes Web(see Lategan v Commissioner for Inland Revenue 1926 CPD 203 at 209; Commissioner for Inland Revenue v Peoples Stores (Walvis Bay) Pty Ltd 1990 (2) SA 353 (A) at 298E; …

Web(See Lategan v CIR [1926] (2 SATC 16); CIR v People s Stores (Walvis Bay) (Pty) Ltd [1990] (52 SATC 9).) On the outgoings side, expenditure is deductible as soon as it has been "incurred", in the sense that the taxpayer has come under an unconditional legal obligation, except in the few instances where the Income Tax Act lays down that the ... WebPeople v. Williams (1970) 10 Cal.App.3d 745, 89 Cal.Rptr. 364, also cited by the People, in relying on People v. Isby (1947) 30 Cal.2d 879, 894, 186 P.2d 405, does establish that …

http://www.saflii.org/za/cases/ZASCA/1990/1.html WebCIR v People Stores ( Walvis Bay) (Pty) Ltd 2. Principle of earlier of receipt or accrual b) The Munro booked out a luxury suite on 26 February 2024. The booking was made to a very valuable client and for this reason The Munro agreed that payment for this suite will only be made on 30 June 2024. The rate for the suite on 26 February 2024 was ...

WebPeople v. Phillips - 64 Cal. 2d 574, 51 Cal. Rptr. 225, 414 P.2d 353 (1966) Rule: A wide discretion reposes in the trial court to determine the sufficiency of the qualifications of …

WebCIR v People’s Stores (Walvis Bay) (Pty) Ltd. 5. the court, in applying this principle , held that the right to claim payment of a debt in the future was of such a nature that a value could be attached to it in money and the amount therefore had to … simplified whole life policiesWebCourt cases: Study unit 2: CIR v Golden Dumps (Pty) Ltd 1993 ($) SA 110 (A) Erf 3183/1 Ladysmith (Pty) Ltd v CSIR 1996 (3) SA 942 (A) Study unit 3: Prescribed: Lategan v CIR 1926 CPD 203, 2 SATC 16 CIR v Delfos 1933 AD 242, 6 SATC 92 CIR v Peopleís Stores (Walvis Bay) (Pty) Ltd 1990 2 SA 535 (A) M v CSARS (14005) [2024] ZATC 1 (30 May … simplified whole life vs universal lifeWebAmount C:SARS v Brummeria Renaissance (Pty) Ltd CIR v Butcher Bros (Pty) Ltd ... from a source within .. Republic CIR v Lever Brothers and Unilever Ltd. accrued to CIR v People’s Stores (Walvis Bay) (Pty) Ltd CIR v Witwatersrand Association of Racing Clubs CIR v Lategan Mooi v SIR. received by Geldenhuys v CIR MP Finance Group CC (In ... simplified windows 10WebGet People v. Kurr, 654 N.W.2d 651 (2002), Court of Appeals of Michigan, case facts, key issues, and holdings and reasonings online today. Written and curated by real attorneys … raymond noe google scholarhttp://kenyalaw.org/caselaw/cases/view/167696/ raymond nolanWebSee Lace Proprietary Mines Ltd v CIR 1938 AD 267, 9 SATC 349. 9. ... The entitlement principle was confirmed in . CIR v People’s Stores (Walvis Bay) (Pty) Ltd . 1990 (2) SA 353 (A), 52 SATC 9 at 19. DRAFT 5 (d) “Intellectual property” Section 49A refers to intellectual property as defined in section23I. Section 23I simplified wellness journalWebaccrued to CIR v People’s Stores (Walvis Bay) (Pty) Ltd CIR v Witwatersrand Association of Racing Clubs CIR v Lategan Mooi v SIR Definition of gross income. received by Geldenhuys v CIR MP Finance Group CC (In Liquidation) v C:SARS Pyott Ltd v CIR ; ABC(Pty) Ltd v CSARS Definition of gross income. of a capital nature – intention raymond noel thomas